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Court filing · Aug. 1, 2025

Declaration supporting Maxwell defense co-counsel's withdrawal, Aug. 1, 2025

Declaration by Maxwell's outgoing co-counsel supporting his firm's motion to withdraw, noting new counsel is prepared to handle the government's unsealing motion.Machine-written summary

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK

x

UNITED STATES OF AMERICA,

— against —

GHISLAINE MAXWELL,

Defendant.

x

20 Cr. 330 (ME)

DECLARATION OF CHRISTIAN R. EVERDELL IN SUPPORT OF MOTION TO WITHDRAW AS CO-COUNSEL

I, CHRISTIAN R. EVERDELL, declare as follows:

  1. I am a partner at the law firm & Gresser LLP (“C&G”), co-counsel for defendant Ghislaine Maxwell. I am fully familiar with the facts set forth herein and respectfully submit this declaration pursuant to Local Civil Rule 1.4, Local Criminal Rule I.1(b) (making Local Civil Rule 1.4 applicable to criminal proceedings), and Local Criminal Rule 1.2, in support of C&G’s motion to withdraw as co-counsel for defendant Ghislaine Maxwell in the abovecaptioned matter.

  2. Ms. Maxwell retained C&G to represent her in the above-captioned matter. Mark and I filed notices of appearance on July S. 2020. C&G represented Ms. Maxwell at trial and through her sentencing on June 28, 2022.

  3. Ms. Maxwell’s sentencing concluded her district court proceedings. Ms. Maxwell filed a notice of appeal on July 7, 2022. C&G did not represent Ms. Maxwell in her appellate proceedings.

  4. On July 18, 2025, Deputy Attorney General Todd Blanche appeared in this case on behalf of the government and filed a motion to unseal grand jury transcripts.

  5. On July 22, 2025, David Markus and Melissa Madrigal of Markus IIMPLLC (“Markus appeared as counsel of record in this case for Ms. Maxwell.

  6. I have spoken with Mr. Markus who has confirmed that Ms. Maxwell has retained Markus to handle the government’s unsealing motion and that he is prepared to meet any deadlines imposed by the Court.

  7. Mr. Markus has also informed me that he has discussed this motion with Ms. Maxwell and she consents to C&G’s withdrawal from this matter.

  8. C&G is not asserting any liens in this matter and will share its files with Markus upon request. subject to the conditions imposed by the protective order in this case (Dkt. No. 36).

  9. C&G has served a copy of this declaration and its notice of motion to withdraw on Ms. Maxwell via Mr. Markus.

{sup}Ideclare under apenalty of perjury pursuant to 28 U.S.C. 1746 that the foregoing is true and correct.

Dated: August 1, 2025 New York, New York

Respectfully submitted,

& GRESSER LLP

Christian R. Everdell 800 Third Avenue, 21’ Floor New York, NY 10022 Phone: (212) 957-7600 Fax: (212) 957-4514 ceverdell@cohengresser.com

Attorneys for Ghislaine Maxwell

Declaration supporting Maxwell defense co-counsel's withdrawal, Aug. 1, 2025

Court filings

Declaration by Maxwell's outgoing co-counsel supporting his firm's motion to withdraw, noting new counsel is prepared to handle the government's unsealing motion.

Court Records: United States v. Maxwell (S.D.N.Y. 1:20-cr-00330) · Aug. 1, 2025

UNITED STATES DISTRICT COURT SOUTHERN DISTRICT OF NEW YORK x UNITED STATES OF AMERICA, — against — GHISLAINE MAXWELL, Defendant. x 20 Cr. 330 (ME) DECLARATION OF CHRISTIAN R. EVERDELL IN SUPPORT OF MOTION TO WITHDRAW AS CO-COUNSEL I, CHRISTIAN R. EVERDELL, declare as follows: 1. I am a partner at the law firm & Gresser LLP ("C&G"), co-counsel for defendant Ghislaine Maxwell. I am fully familiar with the facts set forth herein and respectfully submit this declaration pursuant to Local Civil Rule 1.4, Local Criminal Rule I.1(b) (making Local Civil Rule 1.4 applicable to criminal proceedings), an…